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Tax Cases: Interest Allowed after Business Cessation and Refinancing

Published on 01 May 02 by "TAXATION IN AUSTRALIA" JOURNAL ARTICLE

This tax case discusses the Commissioner of Taxation v Jones [2002] FCA 204 (8 March 2002).

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Spyros Kotsopoulos CTA
Photo of author, Spyros KOTSOPOULOS Spyros is a Tax Advisory Partner at Deloitte in Sydney with over 25 years experience. Spyros advises clients ranging from high wealth family groups, large corporate groups and private equity, and is mindful of the specific needs of the commercial interests of each of these stakeholders when providing tax advice. The emphasis of Spyros’ advisory work is on tax structuring, M&A transaction services (including pre-IPO restructures, tax due diligence and review of tax indemnities and warranties), strategic tax planning and tax controversy/audit. Spyros has advised clients involved in financial services, funds management, property and construction, and professional services. - Current at 16 June 2022
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